DBpedia – Linked Data Fragments

DBpedia 2015-10

Query DBpedia 2015-10 by triple pattern

Matches in DBpedia 2015-10 for { ?s ?p "Fox Broadcasting Co. v. Dish Network, LLC (C.D. Cal. January 12, 2015), is a copyright case in which the United States District Court for the Central District of California by granting partial summary judgment denied most part of the copyright claims presented by Fox Broadcasting (Fox) against Dish Network (Dish) for its service DVR-like device that allowed users to record programming that could be accessed later through any Internet connected device (Dish Anywhere). The service offered by Dish also allowed users to record any or all Fox’s (and the four major broadcast networks) prime time programs (Prime Time Any Time or PTAT) and to automatically skips commercials (AutoHop). Fox argued that Dish Network was guilty of copyright infringement and breach of contract. The district court held that Dish Anywhere did not infringe Fox’s public performance right because the service only could be used by subscribers to get access to their own recordings. The recording action and the later transmission depended on the subscribers engage in a volitional action. Therefore, there was no direct infringement from Dish. Neither was there a secondary infringement of the company because Dish’s users did not publicly perform by using Dish Anywhere. Dish had license from Fox that allows it to transmit Fox’s programing to its subscribers. When a user transmits programing from one device to another, she access in a different device to a something that already is in her possession, this action is not a public performance within the meaning of the statue. The court held that PTAT did not directly infringe Fox’s reproduction right because Dish did not engage in a volitional conduct. The recording was made in exclusive response to the user’s command. Also, the court ruled that PTAT used by Dish’s subscribers was fair use according Sony case."@en }

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